Commission Implementing Regulation (EU) 2019/2092 of 28 November 2019 imposing a definitive countervailing duty on imports of biodiesel originating in Indonesia
(a) the counterfactual identified by the Commission is incorrect insofar as it finds that absent the OPPF biodiesel producers would receive a lower price for their biodiesel. According to the GOI, absent the OPPF and lacking any legal obligation on the producers to sell biodiesel domestically, biodiesel producers would simply maximise their profit and sell on the export market; and, (b) The conversion cost used by the GOI in the formula to calculate the biodiesel reference price is not excessive as it does account for SG&A and profit.
(a) The export restraints were not collected during the investigation period as the export tax was suspended during the investigation period and the export levy was suspended after the investigation period. Additionally, that suspension indicates that the GOI no longer has the intention to impose export restraints; and, (b) The Commission failed to prove entrustment or direction of the CPO suppliers.
(a) The bids placed by interested buyers are generally based on international market prices; (b) The tendering process is very competitive, and PTPN can counter-offer if the price is deemed too low; (c) There is no evidence supporting the Commission’s claim that PTPN does not act as a rational operator; (d) The domestic CPO suppliers, based on the results of tenders, choose whether to sell their CPO and at which prices; (e) The fact that PTPN sells CPO via public tenders makes it a price taker rather than a price setter.
(a) The export restraints are not designed to support the biodiesel industry and any impact on prices is a mere side-effect of the measures; (b) PTPN sets its prices via competitive tenders and is profitable; (c) Price alignment of CPO suppliers to PTPN does not show entrustment or direction; (d) CPO suppliers are rational operators on the market and the Commission failed to carry out verification of their responses; and, (e) The Commission failed to prove a demonstrable link between the action of the GOI, via PTPN, and the action of the CPO suppliers. According to the GOI, the limited market share of PTPN would not allow it to set market prices.
Company | Definitive subsidy rate |
---|---|
PT Ciliandra Perkasa | 8,0 % |
PT Intibenua Perkasatama and PT Musim Mas (Musim Mas Group) | 16,3 % |
PT Pelita Agung Agrindustri and PT Permata Hijau Palm Oleo (Permata Group) | 18,0 % |
PT Wilmar Nabati Indonesia and PT Wilmar Bioenergi Indonesia (Wilmar Group) | 15,7 % |
All other companies | 18,0 % |
Investigation period | October 2018-June 2019 | |
---|---|---|
Total production (tonnes) | ||
Sales volume on the Union market (tonnes) | ||
Unit cost of production (EUR/tonne) | 791 | 760 |
Average unit sales price in the Union on the total market (EUR/tonne) | 794 | 790 |
Capacity utilisation rate | 82 % | 80 % |
Q4 2018 | Q1 2019 | Q2 2019 | Total post IP | |
---|---|---|---|---|
Profit of the sampled Union producers | 10,8 % | 0,1 % | - | 3,8 % |
IP | 2018 Q4 | 2019 Q1 | 2019 Q2 | |
---|---|---|---|---|
Total imports of biodiesel (metric ton) from Indonesia | ||||
2017 Q4 | 2018 Q1 | 2018 Q2 | 2018 Q3 | |
---|---|---|---|---|
Total imports of biodiesel (metric ton) from Indonesia | 0 | |||
Volume of imports (tonnes) | Estimated market share (%) | Average price (EUR) | |
---|---|---|---|
Argentina | 5,7 | 673 | |
Indonesia | 5,0 | 655 | |
Malaysia | 3,5 | 727 | |
China | 1,7 | 796 | |
Company | |
---|---|
PT Ciliandra Perkasa | 8,0 % |
PT Intibenua Perkasatama and PT Musim Mas (Musim Mas Group) | 16,3 % |
PT Pelita Agung Agrindustri and PT Permata Hijau Palm Oleo (Permata Group) | 18,0 % |
PT Wilmar Nabati Indonesia and PT Wilmar Bioenergi Indonesia (Wilmar Group) | 15,7 % |
All other companies | 18,0 % |
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